This is the final page (page 4) of a legal filing by the United States Attorney for the Southern District of New York in Case 1:20-cr-00330-PAE (United States v. Ghislaine Maxwell). The Government argues against the defense's schedule regarding 'sensitive issues' and requests the Court maintain the October 18, 2021, deadline for Rule 412 motions (regarding admissibility of victim sexual history), or set a final deadline of October 25, 2021. The document is signed by Assistant US Attorneys Moe, Pomerantz, and Rohrbach under US Attorney Damian Williams.
| Name | Role | Context |
|---|---|---|
| Damian Williams | United States Attorney |
Head signatory for the Government
|
| Alison Moe | Assistant United States Attorney |
Signatory for the Government
|
| Lara Pomerantz | Assistant United States Attorney |
Signatory for the Government
|
| Andrew Rohrbach | Assistant United States Attorney |
Signatory for the Government
|
| Defense counsel | Opposing Counsel |
Copied on the filing via ECF
|
| Name | Type | Context |
|---|---|---|
| United States Attorney's Office |
Prosecution
|
|
| Southern District of New York |
Jurisdiction
|
|
| Department of Justice (DOJ) |
Indicated by footer code DOJ-OGR
|
| Location | Context |
|---|---|
|
Legal jurisdiction
|
"There is no reason to impose the defense’s cramped schedule on the Court or the parties, particularly where the motion concerns such sensitive issues."Source
"For these reasons, the Government respectfully submits that the Court should maintain the October 18, 2021 in limine deadline as the deadline for the defense to file a motion under Rule 412"Source
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